Understanding State Authorization - AAMC...Mar 31, 2016 · States may legally require institutions...
Transcript of Understanding State Authorization - AAMC...Mar 31, 2016 · States may legally require institutions...
Understanding State AuthorizationA Focus on Clinical Rotations
Matthew ShickAAMC Government RelationsMarch 31, 2016
AAMC State Authorization Guidance
What is State Authorization?
The basic premise is simple…States may legally require institutions to register and meet certain requirements to operate higher education programs within their borders – a process known as “state authorization.”State authorization is comprised of state law, regulation, guidance, and local policy.
But what constitutes “operating” within a state?(note – every state has different rules)
DefinitionsHome Institution/State: The medical school that the student regularly attends, which is predominantly located in (and presumably authorized to operate within) it’s home state. The home institution sponsors the clinical rotation. Away Institution/State: The medical school or teaching hospital hosting the visiting student across state lines.
Distance Education: Typically refers to online or correspondence courses and is not applicable to clinical rotations. Physical Presence: A type of “operating” within a state that can require state authorization. Sometimes referred to as “bricks and mortar” or “on the ground,” many states consider clinical rotations to trigger physical presence.
Clinical Rotations & State Authorization
Home Institution
FacultyVisiting Student
State Line
submit review
evaluation
away rotation
Why Now?
• Previously on the books, but overlooked• Quality assurance / protecting students• Online, distance education• For-profit programs• International medical education• State revenue source• Department of Education activity
The Dept. of Education Has Been Busy
Oct. 29, 2010 Dept. of Ed. Final RuleJuly 12, 2011 U.S. District Court RulingFeb. 21, 2012 U.S. Court of Appeals July 27, 2012 Ed. Dear Colleague LetterJan. 23, 2013 Ed. Reminder Letter
The Department of Education maintains that institutions violating state law are not eligible for federal student aid.
State Authorization Non-Compliance Can Result In:
• Strongly worded letters• Fines• Prohibition of current and/or future clinical
rotations• Loss of main campus state authorization• State licensure? (more of an issue for other
health professions) • Loss of eligibility for federal student aid
State Authorization Requirements Can Include:
• Applications, exemptions• Annual recertification and/or reporting• Fees: $0 – $15,000• Processing time: 2 weeks – 1 year• Duration: 1 – 5 years• Distinctive features: peer review, orientation
State Authorization Reciprocity Agreement (SARA)
• An agreement among member states that establishes comparable national standards for interstate offering of postsecondary education
• SARA state membership is voluntary and may require a change in state law
• Annual fee to participate in SARA is based on enrolled FTE:
• <2,500 $2,000 • 2,500-9,999 $4,000• 10,000+ $6,000
Three Necessary Participants for SARA
Home State
Away State
Home Institution
Without all three, there is no reciprocity
Clinical Rotations Under SARA• Establishes a uniform standard for physical presence
that supersedes all conflicting state laws for purposes of SARA
• “Supervised field experiences” do not establish a physical presence under SARA and are therefore covered by the provisions of SARA, whether the field experience is part of a distance-education or campus-based program
• Cannot provide for the placement of more than ten students from an individual academic program placed simultaneously at one clinical or practicum site, unless approval for a larger number is provided by the host state SARA portal agency
• Non-credit clinical rotations are covered by SARA
SARA Has Been Widely Adopted
Source: National Council for State Authorization Reciprocity Agreements (NC-SARA) http://nc-sara.org/sara-states-institutions
New York and the LCME/AOA Proxy“As long as the programs are accredited by the Liaison Committee on Medical Education (LCME) or the American Osteopathic Association (AOA) and maintain that accreditation, no further authorization from our office should be necessary in order to place student interns in NY State clinical facilities.” – New York Professional Education Program Review
North Carolina and the VSAS Proxy“If a student applies to be placed at a site through VSAS, and is placed at an institution where post-secondary degree activity occurs, AND that institution enrolls them as a non-degree seeking student, then the student may perform the field experience.”– UNC General Administration
“AAMC Compliance Table” GuideState Does the state require
authorization for clinical practicum?(“State Auth?”)
Is the state a SARA member?
(“SARA?”)State 1 No YesState 2 No NoState 3 Yes YesProblem State Yes NoProxy State LCME/AOA/VSAS No
Table Sources:
State Higher Education Executive Officers Association (SHEOO) State Authorization Survey and Reports; May 2015 http://www.sheeo.org/node/434
National Council for State Authorization Reciprocity Agreements (NC-SARA) State Actions Regarding SARA; Jan. 2015 http://nc-sara.org/content/sara-state-status
Compliance Table: SARA InstitutionsState Auth? SARA?
Alabama Yes YesAlaska No YesArizona No YesArkansas No YesCalifornia No NoColorado No YesConnecticut No NoDelaware No NoD.C. No NoFlorida No NoGeorgia No YesHawaii No NoIdaho No YesIllinois No YesIndiana No YesIowa No YesKansas No YesKentucky Yes NoLouisiana No YesMaine No YesMaryland No YesMassachusetts No NoMichigan No YesMinnesota No YesMississippi No YesMissouri Yes Yes
State Auth? SARA?Montana No YesNebraska No YesNevada Yes YesNew Hampshire Yes YesNew Jersey No NoNew Mexico No YesNew York LCME NoNorth Carolina Yes NoNorth Dakota No YesOhio Yes YesOklahoma No YesOregon Yes YesPennsylvania No NoPuerto Rico No NoRhode Island Yes YesSouth Carolina No NoSouth Dakota No YesTennessee No YesTexas Yes YesUtah No NoVermont No YesVirginia No YesWashington No YesWest Virginia Yes YesWisconsin No NoWyoming Yes Yes
Compliance Table: non-SARA InstitutionsState Auth? SARA?
Alabama Yes YesAlaska No YesArizona No YesArkansas No YesCalifornia No NoColorado No YesConnecticut No NoDelaware No NoD.C. No NoFlorida No NoGeorgia No YesHawaii No NoIdaho No YesIllinois No YesIndiana No YesIowa No YesKansas No YesKentucky Yes NoLouisiana No YesMaine No YesMaryland No YesMassachusetts No NoMichigan No YesMinnesota No YesMississippi No YesMissouri Yes Yes
State Auth? SARA?Montana No YesNebraska No YesNevada Yes YesNew Hampshire Yes YesNew Jersey No NoNew Mexico No YesNew York LCME NoNorth Carolina Yes NoNorth Dakota No YesOhio Yes YesOklahoma No YesOregon Yes YesPennsylvania No NoPuerto Rico No NoRhode Island Yes YesSouth Carolina No NoSouth Dakota No YesTennessee No YesTexas Yes YesUtah No NoVermont No YesVirginia No YesWashington No YesWest Virginia Yes YesWisconsin No NoWyoming Yes Yes
AAMC Flow Chart for Home Institutions
Compliance Flow Chart: Step 1
Compliance Flow Chart: Step 2
Compliance Flow Chart: Step 3
Compliance Flow Chart: Step 4
Compliance Flow Chart: Step 5
For example: Scenario 1A student at Duke University School of Medicinewould like to attend a 4th year elective at Oregon Health & Science University School of Medicine…
• Oregon requires state authorization• Oregon does not use a LCME/VSAS proxy• North Carolina is not a SARA member• Therefore, Blue Devils must register in Oregon
For example: Scenario 2A student at University of Virginia School of Medicine would like to attend a clerkship at University of Wisconsin School of Medicine and Public Health…
• Wisconsin does not require state authorization• Therefore, Wahoos can go to Wisconsin
For example: Scenario 3A student at University of Oklahoma College of Medicine would like to do a rural preceptorship at University of Kansas School of Medicine…
• Kansas requires state authorization• Kansas does not use a LCME/VSAS proxy• Oklahoma is a SARA State• OU is a SARA member• Kansas is a SARA member• Therefore, Sooners can go to Kansas
Disclaimer: States May Have Requirements That Don’t Fall Under “State Authorization”
• Notification of activities• Application for exemption• Prohibit compensation of clinical supervisors• Place limitations on the number of students
from an individual academic program • Cap the percentage a clinical rotation
represents of the total medical program (e.g., no more than 10-25%)
Disclaimer: Non-Clinical Activities May Trigger State Authorization
• Remote campuses (physical infrastructure)• Marketing, advertising• Recruitment activities• Online programs (distance education)• Required testing locations• Faculty in another state• Continuing Medical Education?
Additional ResourcesAAMC State Authorization Guidance• “State Authorization and Medical Education”
State Higher Education Executive Officers Association (SHEEO)• State Authorization Surveys (see “5. Physical Presence Policy
– Common Triggers” and 5B2a. regarding clinical rotations)
• Directory of State Authorization Agencies and Lead Contacts
National Council for State Authorization Reciprocity Agreements (NC-SARA)• SARA States and Institutions • Becoming a SARA Institution
Questions?
Matthew Shick, JDDirector, Government Relations &Regulatory Counsel
Association of American Medical Colleges655 K St., NW, Suite 100 Washington, D.C. 20001T (202) 828-0526 E [email protected] “MedEd Matt” on Twitter: @MatthewShickTomorrow's Doctors, Tomorrow's Cures®